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| P.2 DISCLAIMER This document may contain a number of forecasts and comments relating to the targets and strategies of the Societe Generale Group. These forecasts are based on a series of assumptions, both general and specific, notably - unless specified otherwise - the application of accounting principles and methods in accordance with IFRS (International Financial Reporting Standards) as adopted in the European Union, as well as the application of existing prudential regulations. This information was developed from scenarios based on a number of economic assumptions for a given competitive and regulatory environment. The Group may be unable: - to anticipate all the risks, uncertainties or other factors likely to affect its business and to appraise their potential consequences; - to evaluate precisely the extent to which the occurrence of a risk or a combination of risks could cause actual results to differ materially from those provided in this presentation. There is a risk that these projections will not be met. Investors are advised to take into account factors of uncertainty and risk likely to impact the operations of the Group when basing their investment decisions on information provided in this document. Unless otherwise specified, the sources for the rankings are internal. The Group’s condensed consolidated accounts at 31 December 2013 thus prepared were examined by the Board of Directors on 11 February The Statutory Auditors’ limites review of the condensed consolidated financial statements is currently underway. The financial information presented for the nine-month period ending 31 December 2013 has been prepared in accordance with IFRS as adopted in the European Union and applicable at this date.

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| P.4 SFH - “SOCIETES DE FINANCEMENT DE L’HABITAT” Legal Framework Specific law voted by French Parliament in October 2010 reinforcing the legal framework of “Sociétés de Crédit Foncier” and establishing “Sociétés de Financement de l’Habitat” (Home Financing Companies). Issuer is a specialized credit institution regulated by the French regulator (“Autorité de Contrôle Prudentiel”). Compliant with provision 22(4) of the EU’s UCITS Directive. Assets Limited by law to residential mortgage home loans, and residential guaranteed home loans Originated from France, European Economic Area or countries with a minimum rating of AA-. OFH can fund a maximum of 80% of the value of the financed property. Transfer can take the form of: - Collateralized loan, - “Billet à l’Habitat” Eligible substitution assets for a maximum of 15%. Requirements to disclose details on the cover pool on a quarterly basis. Minimum nominal over-collateralisation rate of 2%. Obligations de Financement de l’Habitat Benefit from a legal privilege organized and protected by law that supersedes the French bankruptcy law. Fully remote from a bankruptcy of the sponsor bank that would not be extended to the SFH. In such event, no acceleration of the covered bonds would take place. Dual recourse on the cover pool and the sponsor bank (in the unlikely event of the cover pool not being sufficient to serve all the covered bonds). Other Features Asset monitoring by law, carried out by the “Specific Controller”, an independent trustee reporting to the “Autorité de Contrôle Prudentiel” and in charge of protecting the interest of OFH holders. Requirements to cover liquidity gaps over the next 180 days with substitution assets, and liquidity lines granted by eligible counterparties.

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| P.5 Obligations de Financement de l’Habitat: Highest level of investor protection Statutory “Privilège”. Principal and interests of the covered bonds benefit from the so called “Privilège” (priority right of payment). Assets Eligibility Criteria. Only assets that perfectly match the legal eligibility criteria can be included in the Cover Pool. The sponsor bank, as servicer, and the Specific Controller ensure that only eligible assets are transferred to the issuer. Segregation, non consolidation in case of insolvency of the mother company. French legislation precludes the extension of insolvency proceedings in respect of the mother company of an SFH to the SFH itself. Over-collateralisation. The law requires a minimum over-collateralisation of 2%. Liquidity buffer. The law requires the SFH to cover, at all times, its treasury needs over a period of 180 days, taking into account the forecasted principal and interest inflows on its assets and net flows related to derivative financial instruments. Issuance of auto-held covered bonds. Sociétés de Financement de l’Habitat are authorized to withhold their own covered bonds (up to 10% of the issuance size) and to use them as collateral for refinancing operations with the ECB.

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| P.7 SG SFH: MONITORING AND SUPERVISION Specific Controller required by law to ensure permanent and proper supervision over the assets refinanced through OFH issuance (Art. L of the Code Monétaire et Financier)  Annual report from the Specific Controller to the French regulator (ACP) displaying all controls performed to be in accordance with law  Specific Controller certifies the quarterly issuance provisional program (Art. R IV of the Code Monétaire et Financier)  Specific Controller has to issue a specific report for each issuance in excess of 500 MEUR (Art. R IV of the Code Monétaire et Financier)  A report displaying the detail of the assets refinanced through OFH issuance is delivered on a quarterly basis to the French regulator (ACP) and attached on the investor website (http://www.societegenerale.com/fr/mesurer-notre-performance/investisseurs/investisseurs-dette)http://www.societegenerale.com/fr/mesurer-notre-performance/investisseurs/investisseurs-dette  SG SFH Specific Controller is Cailliau Dedouit et Associés, an independent audit firm

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| P.9 SG SFH main eligibility criteria  Loans granted in Euros  Loans governed by French law  The financed property is a residential property, located in France  Loans are secured by a guarantee granted by Crédit Logement  At the date on which the loan is selected to enter into the pool:  principal outstanding can not exceed EUR 480,000 if the property value exceeds EUR 600,000  residual maturity can not exceed 30 years  at least one instalment has been paid  no unpaid instalment  Borrowers are individuals  Borrowers are not SG Group employees  No contractual set off right granted to the borrower  No amount drawn under the loan and already repaid can be redrawn by the borrower The Cover Pool is replenished on a monthly basis, eligibility criteria being applied at each replenishment SG SFH COVER POOL (2/2)

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| P.10 SG SFH ASSET LIABILITY MANAGEMENT (1/2) The structure has been set up taking into account best ALM practice  WAL Cover Pool as of 31 December 2013: 8.13Y  WAL OFH as of 31 December 2013: 8.26Y

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| P.14 OVERVIEW OF THE FRENCH HOME LOAN MARKET (1/3) FRENCH HOME LOAN MARKET CONTEXT SG Group : EUR 53.9Bn home loans outstanding to individuals 63% ownership rate (second lowest in EU) 31.4% of French households bearing residential loans Home prices resilient, impacted by the financial crisis to a very limited extent Maturity at origination on a decreasing trend French home loan market European home ownership % Source: ACP - SG Maturity of home loans at origination

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| P.15 FRENCH HOME LOANS MAIN CHARACTERISTICS: Guaranteed rather than mortgage loans Fixed rate loans Amounts lent are based on the borrower’s capacity to repay rather than on the leverage ratio No home equity loan market Source: ACP - SG OVERVIEW OF THE FRENCH HOME LOAN MARKET (2/3)

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| P.16 FRENCH MARKET BASED ON: The French home loan market is a prime loan market  Mainly on existing properties (+/- 60 %) Default rates remain at low level  At national level  At Société Générale level  Especially when guaranteed by Crédit Logement French market – Loan purpose (Crédit Logement classification) Doubtful home loans OVERVIEW OF THE FRENCH HOME LOAN MARKET (3/3)

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| P.17 SG FRENCH HOME LOAN BUSINESS CHARACTERISTICS SOCIETE GENERALE FRENCH HOME LOAN BUSINESS Focused on  Crédit Logement guarantee  Owner occupied home Most of the time borrowers are already known clients before granting of the home loan For any acquisition channel, acceptance comes within the competence of the branch Société Générale French Home Loan Business Performing outstanding breakdown as of end of 2013 Société Générale production’s structure Type of acquisition channel Type of loan purpose Type of clients Annual SG Habitat Retail origination – Breakdown by type of security

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| P.19 CREDIT LOGEMENT / MUTUAL GUARANTEE FUND (MGF) The guarantee provided by Credit Logement is based on the contribution of each borrower to the Mutual Guarantee Fund (MGF) The MGF is a dedicated guarantee on residential mortgage loans:  Every borrower benefiting from a Credit Logement guarantee participates by his initial payment to the supply of the fund,  The MGF allows repaying the bank in case the borrower fails,  Once the loan is repaid, the customer can benefit from the repayment of a part of his initial participation in the MGF, this sum being calculated according to the global rate of use of the MGF The advantage of MGF benefits to the borrowers, compared with standard guarantees offered by some other institutions which are more constitutive of some insurance, and where the borrower cannot get back any portion of its initial contribution

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| P.20 CREDIT LOGEMENT PERFORMANCE ON ITS MARKET “Guarantee” market share in home loan market: in 2012, guaranteed loans represented 56% of the overall residential loans granted in France, vs 41% with respect to the mortgage loans (usual mortgage) (**) Home loan guarantee market: Crédit Logement is the national leader of the home loan guarantee market, with a market share above 50%. Main figures(*): Disbursements on guarantee calls and full partner bank compensations are paid from the MGF, while Crédit Logement overheads are covered by fees partly spread over the life time of the guarantees. Crédit Logement NBI also comprises interest income from the MGF investments and reached EUR 255m in 2012 (EUR 207m in 2011). (**) Source: OFL – CSA (*) Source: Enquête annuelle 2012 du SGACP sur le financement de l'habitat

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| P.21 CREDIT LOGEMENT BUSINESS MODEL Crédit Logement provides guarantees of home loans in case of non repayment by borrowers, as an alternative to the traditional registration of a mortgage  Each home loan granted by SG and guaranteed by Crédit Logement has to satisfy both Crédit Logement and SG credit policies  Its knowledge of the home loan market (working with all the French banks) allows Crédit Logement remaining well aware of the market practices Crédit Logement has signed agreements with 222 partner banks it is working with, these agreements stating the rights and obligations of each partner bank The use of Crédit Logement guarantees has real competitive advantages both for banks and borrowers  Competitive cost, with repayment of a high portion of the contribution to the Mutual Guarantee Fund (MGF),  Allow avoidance of mortgage registration,  Flexible: efficient process allowing quick obtaining and cancellation (once loan is fully repaid), with no extra deregistration cost in case of early repayment. For Borrowers  No cost involved, and automatic process to obtain the guarantee approval based on precise criteria  No administrative burden to follow on the mortgage,  Full and rapid compensation when a guaranteed loan is defaulting,  Recovery process fully managed by Crédit Logement, in particular Crédit Logement developed an expertise on this activity For Banks

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| P.22 CREDIT LOGEMENT PROCESSES – Granting process When receiving a guarantee request, in mostly cases through electronic transmission or its extranet, the process works as follows:  Internal review of its own register to assess Crédit Logement exposure on this borrower,  Automated analysis by the DIAG system, which has approved about 55% of all transactions received in 2012,  Manual assessment by analysts, in circumstances where DIAG has not provided an automatic clearance. DIAG combines a score, limits and professional rules with two main axis of analysis:  Customer ability to repay the loan,  Analysis of the borrower’s available assets.

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| P.23 CREDIT LOGEMENT PROCESSES – Recovery process When called on a guarantee, after three unpaid instalments, the process is the following:  The recovery analyst, after receiving the whole file from the bank, contacts the borrower and try, within a limited period of time, to get full repayment of unpaid amounts  Crédit Logement manages to put back to normal loan process 50% of guarantee calls  Otherwise, Crédit Logement’s target is to get an out of Court sale, but may initiate the property seizure. After sale, Crédit Logement has still the ability to pursue the borrower  During the whole procedure, Crédit Logement may secure its recovery by obtaining a judicial mortgage, within less than a week

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| P.26 SG – Crédit Logement guaranteed home loans performances (1/2) Source : Crédit Logement (as of end of December 2013) As of end of December 2013  SG Crédit Logement home loans represent 72.5% of the total outstanding of SG French home loans to individuals  SG SFH home loans guaranteed by Crédit Logement represent 60% of the total SG Crédit Logement home loans Default definition from 3 unpaid instalments